Ang v. Comm'r

2014 T.C. Memo. 53, 107 T.C.M. 1281, 2014 Tax Ct. Memo LEXIS 69
United States Tax Court·Decided March 31, 2014·No. Docket No. 13309-12L·Unpublished

Opinion

LEE ANG, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
Ang v. Comm'r
Docket No. 13309-12L
United States Tax Court
2014 T.C. Memo 2014-53; 2014 Tax Ct. Memo LEXIS 69; 107 T.C.M. (CCH) 1281;
March 31, 2014, Filed

Decision will be entered for respondent.

*69Ronald Jay Cohen, for petitioner.
Marissa J. Savit, for respondent.
LARO, Judge.

LARO
MEMORANDUM FINDINGS OF FACT AND OPINION

LARO12, Judge: This case involves a nominee and jeopardy levy issued with respect to petitioner's unpaid tax liabilities for 1998, 1999, 2000, and 2001 (years at issue). Petitioner petitioned the Court under section 6330(d)(1) to review the *54 determination of the Internal Revenue Service (IRS) Office of Appeals (Appeals) sustaining the nominee and jeopardy levy.

FINDINGS OF FACT

Petitioner is a securities trader residing illegally in the United States.3*71 In or around 1995, shortly after he received a master of business degree from New York University, petitioner began trading equity stocks using a proprietary method involving heavy leverage. Through trading pursuant to his proprietary method, petitioner grew $11,000 that*70 his uncle lent him into more than $20 million over a *55 number of years. Petitioner claims that in or around 1995 he and his uncle entered into an agreement whereby petitioner's trading profits would be split, 93% to his uncle and 7% to petitioner, in return for his uncle's forgiveness of the $11,000 loan. This purported profit-sharing agreement had no end date. In addition, petitioner's uncle had no involvement in petitioner's trading activities.

1. Tax Returns for 1998 Through 2001

Petitioner failed to timely file his tax returns for the years at issue to report his trading income. Petitioner's 1998, 1999, and 2000 returns were filed on July 21, 2003, and his 2001 return was filed on July 24, 2003. In April 2006, before the expiration of the periods of limitation on assessment, the parties executed Forms 872, Consent to Extend the Time to Assess Tax, extending the periods of limitation on assessment for each of the years at issue until December 31, 2007. In March 2007 the parties executed an additional Form 872 to extend the periods of limitation on assessment until December 31, 2008. Each Form 872 was signed by petitioner's attorney Joe B. Cox.4*72

*56 2. Prior Tax Court Proceeding

On September 17, 2007, respondent issued a notice of deficiency with respect to the years at issue. On December 5, 2007, petitioner filed a petition with this Court at docket No. 28143-07. Shortly before trial was to commence on January 11, 2010, the parties entered into a stipulation of settlement which detailed the facts of the deficiency case. Among the facts petitioner acknowledged was that he had received income from accounts that were held in his relatives' names.

On February 25, 2010, the parties entered into a decision document which set forth the following deficiencies in income tax and additions to tax:

Addition to tax
YearDeficiencySec. 6651(a)(1)Sec. 6654
1998$59,423$201,919-0-
19993,962,4111,209,681-0-
20003,922,839984,710-0-
20011,475,791369,939$629

*57 The decision document further stipulated that interest would be assessed as provided by law on the deficiencies and additions*73 to tax. On April 13, 2010, respondent assessed that interest in the following a

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Ang v. Comm'r, 2014 T.C. Memo. 53, 107 T.C.M. 1281, 2014 Tax Ct. Memo LEXIS 69 (tax 2014).

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